The product ‘Fusible Interlining Fabrics of Cotton’ is correctly classifiable under Heading 5903
Classification of goods— In the instant case, the issue to be decided is whether the product ‘Fusible Interlining Fabrics of Cotton’ is correctly classifiable under Chapter 52 or Chapter 59.
since all the 3 conditions as specified in the explanatory notes to HSN in respect of Heading 5903 have been fulfilled as per the above test results submitted by the applicant, we can safely conclude that the ‘fusible interlining of fabric’ manufactured and supplied by the applicant is rightly classifiable under Heading 5903 of the First Schedule to the Customs Tariff Act, 1975(51 of 1975).
Held that— The product ‘Fusible Interlining Fabrics of Cotton’ of the applicant M/s Girish rathod(Jay Ambey), Ahmedabad is correctly classifiable under Heading 5903 of Chapter 59 of the First Schedule to the Customs Tariff Act, 1975(51 of 1975).
The product ‘Fusible Interlining Fabrics of Cotton’ is correctly classifiable under Heading 5903
Classification of goods— In the instant case, the issue to be decided is whether the product ‘Fusible Interlining Fabrics of Cotton’ is correctly classifiable under Chapter 52 or Chapter 59.
since all the 3 conditions as specified in the explanatory notes to HSN in respect of Heading 5903 have been fulfilled as per the above test results submitted by the applicant, we can safely conclude that the ‘fusible interlining of fabric’ manufactured and supplied by the applicant is rightly classifiable under Heading 5903 of the First Schedule to the Customs Tariff Act, 1975(51 of 1975).
Held that— The product ‘Fusible Interlining Fabrics of Cotton’ of the applicant M/s Girish rathod(Jay Ambey), Ahmedabad is correctly classifiable under Heading 5903 of Chapter 59 of the First Schedule to the Customs Tariff Act, 1975(51 of 1975).